RESPONSE ACTION PLAN NICK’S FISH HOUSE 2600 Insulator Drive Baltimore City, Maryland September 1, 2016 Submitted to: Maryland Department of the Environment Voluntary Cleanup Program 1800 Washington Boulevard, Suite 625 Baltimore, Maryland 21230 Attn: Mr. Gary Schold Prepared for: 2600 Insulator Drive, LLC 1000 Key Highway East Baltimore, Maryland 21230 Attn: Mr. Marc Weller Prepared by: GEO-TECHNOLOGY ASSOCIATES, INC. Geotechnical and Environmental Consultants 14280 Park Center Drive, Suite A Laurel, Maryland 20707 (410) 792-9446 or (301) 470-4470 Facsimile (410) 792-7395 www.gtaeng.com GTA Project No: 141887
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RESPONSE ACTION PLAN
NICK’S FISH HOUSE
2600 Insulator Drive Baltimore City, Maryland
September 1, 2016
Submitted to: Maryland Department of the Environment Voluntary Cleanup Program 1800 Washington Boulevard, Suite 625 Baltimore, Maryland 21230 Attn: Mr. Gary Schold
Prepared for: 2600 Insulator Drive, LLC 1000 Key Highway East Baltimore, Maryland 21230 Attn: Mr. Marc Weller
Prepared by:
GEO-TECHNOLOGY ASSOCIATES, INC. Geotechnical and Environmental Consultants 14280 Park Center Drive, Suite A Laurel, Maryland 20707 (410) 792-9446 or (301) 470-4470 Facsimile (410) 792-7395 www.gtaeng.com
GTA Project No: 141887
GEO-TECHNOLOGY ASSOCIATES, INC. GEOTECHNICAL AND ENVIRONMENTAL CONSULTANTS A Practicing GBA Member Firm
14280 Park Center Drive, Suite A, Laurel, MD 20707 (410) 792-9446 (301) 470-4470 Fax (410) 792-7395
Abingdon, MD Baltimore, MD Laurel, MD Frederick, MD Waldorf, MD Sterling, VA Fredericksburg, VA Malvern, OH Somerset, NJ NYC Metro New Castle, DE Georgetown, DE York, PA Quakertown, PA Towanda, PA Charlotte, NC Raleigh, NC
Visit us on the web at www.gtaeng.com
September 1, 2016 2600 Insulator Drive, LLC 1000 Key Highway East Baltimore, Maryland 21230 Attn: Mr. Marc Weller Re: Response Action Plan
Nick’s Fish House Baltimore City, Maryland
Dear Mr. Weller:
In accordance with our agreement dated March 24, 2016, Geo-Technology Associates, Inc. (GTA) has prepared this Response Action Plan (RAP) for Nick’s Fish House located at 2600 Insulator Drive (“subject property”). The subject property is bounded to the east by Insulator Drive and to the west by South Hanover Street in Baltimore, Maryland. This RAP has been prepared to address soil and groundwater contamination detected during prior evaluations, in conjunction with site improvements.
An application for the subject property’s acceptance into the Maryland Department of the
Environment (MDE) Voluntary Cleanup Program (VCP) was submitted to the MDE on May 29, 2016. The subject property was accepted into the VCP by the MDE on December 21, 2015.
We appreciate the opportunity to be of assistance on this project. Should you have any questions
regarding this information, or should you require additional information, please do not hesitate to contact our office at (410) 792-9446.
Sincerely, GEO-TECHNOLOGY ASSOCIATES, INC.
Lisa M. DeRose Project Scientist
for Paul H. Hayden, P.G., L.R.S. Vice President
141887 LMD/PHH S:\Project Files\2014\141887 Nicks Fish House\Doc\RAP\Doc\ENV 141887 RAP.docx cc: Mr. Gary Schold / Maryland Department of the Environment
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EXECUTIVE SUMMARY
Geo-Technology Associates, Inc. (GTA) has prepared this Response Action Plan (RAP) for Nick’s Fish House (the “subject property”), as described herein. This Executive Summary is limited in scope and detail and is presented for the convenience of the reader. Please refer to the written report for details concerning the environmental condition of the subject property, as well as the scope and limitations of this RAP. Do not rely on this Executive Summary for any purpose except that for which it was prepared. Rely only on the full report for information about the findings, recommendations, and other concerns.
The subject property consists of approximately 2.0 acres and is bounded to the east by
Insulator Drive and to the west by South Hanover Street in Baltimore, Maryland. The subject property contains a restaurant (Nick’s Fish House), a marina complex (Baltimore Yacht Basin), a storage building, grassed areas, and associated parking areas.
Historically, the subject property primarily contained vacant land with a “City Wharf”
since prior to 1914. By 1927, the subject property contained three structures, which appeared to be boat maintenance shops, ancillary structures, three piers, and boat storage areas. An additional structure was constructed in 1948 along the eastern property boundary and the shoreline had been dredged and excavated. Between 1966 and 1971, additional fill was placed on the shoreline. Prior to 1972, two structures on the northern portion of the subject property had been razed and one had been partially razed. In addition, a building that appears to have been used for boat maintenance was constructed on the central portion of the site and likely corresponds to the existing storage building. Between 1972 and 1994, all the structures on the subject property except for the storage building had been razed. In 2002, Nick’s Fish House (restaurant) was constructed on the east-central portion of the site, and in 2004 a covered outdoor patio was constructed adjacently west of the restaurant.
GTA understands that portions of the subject property will be improved. The existing
parking area is proposed to be milled and wedged and a new surface coat will be applied. In addition, a six-foot chained-link fence is proposed along the western portion of the subject property and will extend north and terminate at the northwestern property boundary to isolate impacted soil. MDE certified aggregate is proposed to be placed along the shoreline on the southeastern and southcentral portion of the subject property. All of these features are included within the bounds of the RAP.
A June 2006 Phase I Environmental Site Assessment (ESA) indicated that boat maintenance operations, consisting of boat cleaning and storage, occurred on site and a suspected underground storage tank (UST) was identified south of the existing storage building. The site was listed in two environmental regulatory databases (Resource Conservation and Recovery Act Large Quantity Generator and LUST [Leaking Underground Storage Tank]). The LUST case was associated with a UST located on the subject property. A prior Phase I and Phase II ESA had been performed in 2001 due to the historical land use and the suspected UST. Total petroleum hydrocarbon (TPH) diesel range organics (DRO) were detected in one soil sample near the suspected UST above the dated Maryland Department of the Environment (MDE) Residential Cleanup Standard (RCS) but below the dated Non-Residential Cleanup Standard (NRCS).
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Shallow soil samples were collected as part of a June 2006 Limited Phase II ESA to evaluate the potential for metals and/or semi-volatile organic compounds (SVOCs) impacts due to historic land uses. Of the samples collected, five soil samples exhibited metal concentrations above the dated MDE RCS and NRCS and four of the five samples exhibited elevated SVOCs above the MDE RCS and NRCS.
An application for the subject property’s acceptance into the MDE Voluntary Cleanup
Program (VCP) was submitted to the MDE on May 29, 2015. The subject property was accepted into the VCP by the MDE on December 21, 2015.
Based on previous sampling data, the historic use of the subject property, and to satisfy MDE requirements pursuant to the VCP, GTA performed additional soil and groundwater sampling and analysis at the subject property. GTA performed 11 soil borings and collected 21 soil samples.
Several polycyclic aromatic hydrocarbons (benzo(a)anthracene, benzo(a)pyrene,
dibenz(a,h)anthracene, and benzo(b)fluoranthene) were detected at several soil boring locations above the current MDE NRCS. Arsenic exceeded the Anticipated Typical Concentration (ATC) and the MDE NRCS in several samples. The elevated arsenic levels are likely associated with the fill material and are similar in concentration to other commercial/industrial properties in the area. In addition, lead exceeded the MDE NRCS in one soil sample.
Three groundwater samples were collected and analyzed for volatile organic compounds,
TPH DRO, TPH gasoline range organics, and priority pollutant metals. Two groundwater samples exceeded the MDE Groundwater Cleanup Standards (GCS) for TPH DRO. Several metals were also detected above their GCS.
Based on GTA’s Phase II ESA data and historical information, MDE requested that a RAP be developed for the subject property.
This RAP has been prepared to establish a remedy for impacted soil and groundwater
within the site boundary. The proposed remedy for soil includes capping (asphalt, MDE certified aggregate, etc.), observation for correct RAP implementation, installation of fencing to isolate impacted soil, and notification to MDE prior to future excavation activities. The proposed remedy for groundwater includes a deed restriction on the use of groundwater beneath the site for any purpose, health and safety measures during the planned construction, and proper management of groundwater during construction dewatering activities (if necessary). The RAP has been prepared for MDE submittal so that a Certificate of Completion may be obtained following the implementation of the response actions proposed herein.
TABLE OF CONTENTS EXECUTIVE SUMMARY ..........................................................................................................................................i 1.0 SITE OVERVIEW........................................................................................................................................... 1
1.3.1 Structures and Land Use .......................................................................................................................... 2 1.3.2 Site Setting ............................................................................................................................................... 3
2.0 EXPOSURE ASSESSMENT .......................................................................................................................... 6 2.1 Current and Future Land Use/Occupants ....................................................................................................... 6 2.2 Potential Contaminants of Concern ............................................................................................................... 7
2.3 Exposure Pathway Evaluation ....................................................................................................................... 7 2.3.1 Direct Contact and Ingestion of Soil Contamination................................................................................ 8 2.3.3 Exposure of Future Occupants to Groundwater Contamination............................................................... 9 2.3.2 Migration of Contamination to Ecological Receptors .............................................................................. 9
4.1 Corrective Actions for Specific Development Features ............................................................................... 11 4.1.1 Proposed Structures ................................................................................................................................ 11 4.1.2 Asphalt/Concrete Paved Areas ............................................................................................................... 12 4.1.3 Shoreline Areas ...................................................................................................................................... 12
4.2 Site-Wide Corrective Actions for Soils ....................................................................................................... 12 4.2.1 Protection of Site Workers ..................................................................................................................... 12 4.2.2 Imported Fill Material ............................................................................................................................ 12 4.2.3 Groundwater Contamination .................................................................................................................. 13 4.2.4 Institutional Controls ............................................................................................................................. 13
8.1 Written Agreement ...................................................................................................................................... 17 8.2 Zoning Certification ..................................................................................................................................... 17 8.3 Public Participation ...................................................................................................................................... 17 8.4 Performance Bond or Other Security ........................................................................................................... 18
LIST OF APPENDICES Appendix A MDE VCP Acceptance Letter (2 pages)
Appendix B Figures
Figure 1 – Site Location Map Figure 2 – Proposed Improvement Plan and Designated Capped Areas (color) Figure 3 – Topographic Map (color) Figure 4 – Sample Location Plan (color) Figure 5 – Capping Details
Soil concentrations expressed in milligrams per kilogram (mg/kg). Groundwater concentrations are expressed in micrograms per liter (µ/L).
A risk-derived arsenic comparison value was developed from standard risk assessment
calculations, with United States Environmental Protection Agency (USEPA) and MDE guidance
for risk assessments. GTA has utilized this approach on projects with similar types of arsenic
impacts, and this approach has been reinforced with MDE involvement and oversight. The risk-
derived comparison value obtained for commercial properties was 26 mg/kg.
Response Action Plan Nick’s Fish House September 1, 2016 GTA Project No. 141887
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4.0 SELECTED TECHNOLOGIES AND INSTITUTIONAL CONTROLS
This RAP presents proposed corrective actions to protect against exposure to
contaminated soil and groundwater in conjunction with future site improvements. Potentially-
complete exposure pathways have been identified between the contaminated soil/groundwater
and future occupants or users of the subject property. These exposure pathways will be
eliminated through the preparation of a HASP; observation for correct RAP implementation
using appropriate health and safety measures during the planned site improvements; capping;
fencing; and engineering and institutional controls (e.g. deed restrictions on use of groundwater
and notifications prior to excavation). The engineering and institutional controls are summarized
in the table below.
Engineering and Institutional Controls ENGINEERING CONTROLS INSTITUTIONAL CONTROLS
Permanent site capping requirements.
Restricted commercial use requirement (per the VCP land use definition). Soil disposal/excavation notification.
Fencing. Inspection and maintenance requirement for site fencing on northwestern portion of the subject property
HASP generation and implementation for construction workers.
Groundwater use prohibition. MDE notification of transfer of property ownership.
Limiting alternatives to future potential exposure will be performed through placement of
deed restrictions prohibiting the use of groundwater beneath the property. Additionally, future
site improvements will be connected to municipal water and sewer services.
4.1 Corrective Actions for Specific Development Features
4.1.1 Proposed Structures
The subject property currently contains a restaurant (Nick’s Fish House), a marina
complex (Baltimore Yacht Basin), a storage building, grassed areas, and associated parking
areas. A six-foot chained link fence will be installed along the western portion of the property
and will extend north and will then terminate at the northeastern property boundary. This fence
will eliminate access to impacted soil. Details regarding the proposed fencing location is
presented as Figure 2 (Appendix B).
Response Action Plan Nick’s Fish House September 1, 2016 GTA Project No. 141887
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4.1.2 Asphalt/Concrete Paved Areas
The current asphalt parking area will be milled and wedged and a new surface coat will
be applied. Details of the capping are illustrated in Figure 2 – Proposed Improvement Plan and
Designated Capped Areas and Figure 5 – Capping Details in Appendix B.
4.1.3 Shoreline Areas
Pervious capping will include the shoreline areas on the southeastern and southcentral
portions of the subject property to be covered by MDE certified clean aggregate. The aggregate
will be MDE-approved prior to being brought on site. Documentation of these activities will be
submitted to MDE VCP within monthly RAP Implementation Progress Reports and the RAP
Completion Report.
4.2 Site-Wide Corrective Actions for Soils
4.2.1 Protection of Site Workers
Soil containing COPCs above the cleanup criteria in Section 3.0 is present throughout the
site. A HASP will be implemented to reduce direct contact exposure of construction workers to
the impacted soil during construction.
4.2.2 Imported Fill Material
For the planned site improvements, MDE certified clean aggregate is needed for capping
on the southeastern and southcentral portions of the subject property along the shoreline. Such
aggregate will be approved by the MDE prior to being brought on site. No aggregate will be
transported onsite for use as fill material without prior written approval by the VCP project
manager. Documentation of the imported fill will also be summarized within monthly RAP
Implementation Progress Reports and the RAP Completion Report.
4.2.3 Imported Clean Fill
Clean fill is not anticipated to be used for the proposed site improvements. If the
proposed improvements change and require clean fill, clean fill will need to be MDE certified
and meet non-residential standards prior to being brought on-site.
Response Action Plan Nick’s Fish House September 1, 2016 GTA Project No. 141887
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4.2.4 Groundwater Contamination
The planned site improvements include existing connection to a public water supply;
therefore, groundwater use by future occupants will not occur. Based on the depth to
groundwater, direct contact between future occupants and the contaminated groundwater is not
anticipated. To reduce exposure, the site will be capped with hardscape surfaces such as asphalt
and MDE certified aggregate.
A prohibition on the use of groundwater on the subject property for any purpose will be
included in a deed restriction. The proposed remedy for the groundwater contamination
(groundwater use prohibition) is protective of human health since contact with the contaminated
groundwater will be prevented.
Based on the depth to groundwater and details associated with future improvements,
direct contact and incidental ingestion between construction workers and the contaminated
groundwater is not anticipated at this time. The proposed use of the property will be limited to
commercial and industrial processes.
4.2.5 Institutional Controls
Institutional controls will be listed on the COC issued by the MDE VCP for the
successful completion of RAP activities onsite. These institutional controls will include the
maintenance of the cap and fencing, soil excavation restrictions, restrictions on the use of
groundwater beneath the property, and any other restrictions the department deems necessary
based on implementation of the approved RAP.
The proposed remedies for the soil and groundwater contamination are protective of
human health since the remedies are designed to prevent exposure to contamination.
5.0 RISK MANAGEMENT
The proposed remedies include applying a new surface asphalt coat, installation of
fencing, and placement of MDE certified aggregate. These remedies which will require periodic
maintenance activities.
Response Action Plan Nick’s Fish House September 1, 2016 GTA Project No. 141887
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5.1 Cap Maintenance
Physical maintenance requirements will include maintenance of the capped areas to
prevent degradation of the cap and unacceptable exposure to the underlying soil. In addition,
requirements will include maintenance to the fencing. Annual inspections of the cap and fencing
will be conducted each year in the spring, targeting April. The property owner will be
responsible for onsite cap maintenance inspections, performing maintenance to the cap and
fencing, and maintaining all cap inspection records. Maintenance records will include, at a
minimum, the date of the inspection, name of the inspector, any noted issues, and subsequent
resolution of the issues. A Cap Inspection Form is included in Appendix D.
5.2 Emergency Excavation
MDE must be verbally or electronically notified within 24 hours following the discovery
of unplanned emergency conditions at the subject property which will penetrate the cap, and
must be provided with written documentation within 10 days of the repair. In addition, MDE
must be provided written notice a minimum of five business days prior to planned activities at
the site that will penetrate the cap, with the repairs completed within 15 days, and written
documentation submitted to MDE within 10 days of the repair. Written notice of planned
excavation activities must include the proposed date(s) for the excavation, location of the
excavation(s), health and safety protocols (as required), clean fill source and documentation (as
required), and proposed characterization and disposal requirements (as required). The property
owner will maintain on-site records of the yearly inspections and will include information on any
repairs to the capping. The property owner or occupants will be required to notify MDE in
writing of any proposed construction or excavation activities that breech any site cap. These
notification requirements and appropriate contact information must be included in the RAP for
each future development area.
5.3 Planned Excavations
MDE will be provided written notice a minimum of five business days prior to planned
activities at the site that will penetrate the cap, with the repairs completed within 15 days, and
written documentation submitted to MDE within 10 days of the repair. The property owner will
provide written notice of planned excavation activities, including the proposed date(s) for the
Response Action Plan Nick’s Fish House September 1, 2016 GTA Project No. 141887
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excavation, location of the excavation(s), health and safety protocols (as required), clean fill
source and documentation (as required), and proposed characterization and disposal
requirements (as required).
In order to ensure that the site is returned to a condition that complies with the Cleanup
Criteria outlined in Section 3.0, potentially impacted soil encountered during intrusive activities
should be managed as described in the following sections.
6.0 PERMITS, NOTIFICATIONS, AND CONTINGENCIES
6.1 Permits
The property owner must comply with federal, State and local laws and regulations by
obtaining necessary approvals and permits to conduct activities and implement this RAP or
activities specified in the RAP.
6.2 Site Contingency Plan
In the event that the future soil and/or groundwater COPCs exceed their designated cleanup
criteria or safe concentrations and/or cannot be controlled during the RAP implementation
process or contamination and/or exposure risks/pathways not previously identified are identified,
the following contingency measures will be taken:
• Notify MDE within 24 hours. • Postpone implementation of the RAP. • Evaluate new site conditions identified. • Amend RAP to address new site conditions identified.
Notified departments will include:
MDE Voluntary Cleanup Program Land Restoration Program
1800 Washington Boulevard Baltimore, Maryland 21230 (410) 537-3493 Attention: Administrator
Response Action Plan Nick’s Fish House September 1, 2016 GTA Project No. 141887
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In addition to the above, if there is evidence of an oil discharge at the subject property, it
must be reported within two hours as specified in COMAR 26.10.08.01, to the Oil Control
Program (410-537-3442) or, if after normal business hours, to the 24-hour Spill Reporting
Hotline (1-866-633-4646). The MDE will be verbally notified within 48 hours (72 hours in
writing) of changes (planned or emergency) to the RAP implementation schedule, previously
undiscovered contamination, and citations from regulatory entities related to health and safety
practices. Notifications shall be made to the VCP project manager and/or VCP Chief at 410-
537-3493.
Emergency conditions that cause imminent and substantial endangerment to human
health and the environment will require abeyance of the VCP process until the emergency
condition has been addressed.
The MDE must be provided with documentation and analytical reports generated as a
result of any unidentified contamination. The property owner or prospective property owner
understands that previously undiscovered contamination may require an amendment to the RAP.
7.0 IMPLEMENTATION SCHEDULE
The VCP project manager will be notified in writing within 5 calendar days of RAP
implementation activities, and monthly RAP Implementation Progress Reports will be submitted
to the VCP project manager during the implementation of this RAP. The monthly RAP
Implementation Progress Reports will discuss activities that occurred in the preceding month as
well as provide anticipated activities for the upcoming monthly time period. The VCP project
manager will be verbally notified within 48 hours and must be notified in writing within 72 hours
of any changes (planned or emergency) to the RAP implementation schedule. These changes
will be documented in an updated RAP implementation schedule and included in the monthly
RAP Implementation Progress Reports.
The proposed schedule to implement the RAP is presented below. The VCP may request
a new implementation schedule if RAP activities have not begun within 12 months of the
participant receiving approval of this RAP.
Response Action Plan Nick’s Fish House September 1, 2016 GTA Project No. 141887
RAP Review/Approval June/July 2016 Public Participation Period July/August (30 days)
Submit and maintain RAP security (Letter of Credit, Performance Bond, etc.)
10 Days after receiving RAP approval and annually thereafter (dependent on type of RAP security)
MDE RAP Kickoff Meeting August 2016 (beginning) Begin Submittal of Monthly RAP Progress Reports March 2017
Begin Paving and Fencing Installation March- May 2017 Complete Improvements March- May 2017
RAP Completion Report to MDE May 2017 (*) = The tentative schedule presented above is subject to change beyond the Applicant’s control. Deviations from this proposed schedule will be communicated to MDE.
8.0 ADMINISTRATIVE REQUIREMENTS
8.1 Written Agreement
If the RAP is approved by the MDE, 2600 Insulator Drive, LLC (“Participant”)
agrees, subject to the withdrawal provisions of Section 7-512 of the Environment Article, to
comply with the provisions of the RAP. The Participant understands that if it fails to implement
and complete the requirements of the approved RAP and schedule, the MDE may reach an
agreement with the Participant to revise the schedule of completion in the approved RAP or, if
an agreement cannot be reached, the Department may withdraw approval of the RAP. A
certified written agreement from 2600 Insulator Drive, LLC is included as Appendix E.
8.2 Zoning Certification
2600 Insulator Drive, LLC certifies that the subject property meets all applicable
provisions and zoning requirements, as required by Section 7, Subtitle 5 of the Environmental
Article, Annotated Code of Maryland. A certified statement from 2600 Insulator Drive, LLC is
included as Appendix E.
8.3 Public Participation
2600 Insulator Drive, LLC submitted an MDE-approved RAP public notice to The
Baltimore Daily Record, a weekly newspaper with coverage that includes Baltimore, Maryland.
2600 Insulator Drive, LLC held a public informational meeting on the proposed RAP at
BCFD Locust Point Fire House, at 1000 E. Fort Avenue, Baltimore, Maryland 21230 on July 28,
Response Action Plan Nick’s Fish House September 1, 2016 GTA Project No. 141887
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2016 at 6:00 pm. The site history, detected on-site contamination, planned future use of the site,
and a description of the proposed remedies was presented at the meeting.
During the 30-day public comment period after publishing the public notice, a property
sign will be placed along East Cromwell Street. This sign will depict the same information
provided in the public notice outlined above. The sign will be removed following the 30-day
public comment period. Documentation of the sign placement and legibility will be provided to
the MDE for approval.
8.4 Performance Bond or Other Security
As required by the VCP, 2600 Insulator Drive, LLC will provide either a Performance
Bond or Letter of Credit in the amount of $5,000 to MDE covering the cost of securing and
stabilizing the property. Securing and stabilizing the property includes the following activities:
ACTION ACTIVITY ESTIMATED COST • Restrict access to contaminated portions of the
property with fencing (approximately 700 linear feet);
•
$2,400
• Notification signage every 200 feet (5signs); $500
• Secure and placement of aggregate along the shoreline
$2,100
2600 Insulator Drive, LLC understands that the obligation for the performance bond or
other security remains in effect for the subject property and does not become void until issuance
of the final Certificate of Completion for the subject property, or 16 months after withdrawal of
this application from the VCP. 2600 Insulator Drive, LLC acknowledges that failure to maintain
the performance bond or other security for the property will result in the withdrawal of the
Notes:Samples collected on November 11, 2014.Results in milligrams per kilogram (mg/kg), or parts per million (ppm)Only detected compounds shown-- = Not detected at or above the laboratory's reporting limitNA = Not applicableBlank Cell = Not analyzedNRCS = MDE Non-Residential Cleanup Standards for soilATC = Anticipated Typical Concentrations/Reference Levels for soils in Central Maryland (MDE Interim Final Guidance Update No. 2.1, June 2008)Shaded and bold values represent exceedance of MDE RCS and/or ATCPAHs = Polycyclic Aromatic HydrocarbonsPCBs = Polychlorinated BiphenylsVOCs = Volatile Organic CompoundsTPH = Total Petroleum HydrocarbonsGRO = Gasoline Range OrganicsDRO = Diesel Range OrganicsHF = Heavier fuel/oil pattern observed in sample
Shaded and bold values represent exceedance of MDE NRCS (and ATC, if applicable)
PAHs = Polycyclic Aromatic Hydrocarbons
TPH = Total Petroleum Hydrocarbons
GRO = Gasoline Range Organics
DRO = Diesel Range Organics
D = the sample was diluted by a factor of 10 therefore increasing the laboratory reporting limits
D* = D = the sample was diluted by a factor of 100 therefore increasing the laboratory reporting limits
Soil sample GTA-13-(0.5-4.5) from the laboratory results (Appendix C) was actually collected from a depth of 0.5 to 2.5 feet below the ground surface and is called GTA-13-(0.5-2.5) in this table
Comparison Value
Table 2Groundwater Analysis Summary
Nick's Fish House
Nick's Fish House
Baltimore City, Maryland
GTA Project No. 141887
Page 1 of 1
Analyte GTA-6-GW GTA-7-GW GTA-9-GW
VOCs
Methyl-t-Butyl Ether 1.5 -- -- 20
TPH
TPH DRO 560 480 -- 47
Priority Pollutant Metals (Total)
Arsenic 540 64 3.4 10
Beryllium 3.1 7.5 -- 4.0
Cadmium 35 26 -- 5.0
Chromium 840 440 8.5 100
Copper 4,200 2,300 15 1,300
Lead 10,000 6,100 54 15
Mercury 28 4.0 -- 200
Nickel 270 210 4.9 73
Selenium 8.5 -- -- 50
Silver 5.6 5.8 -- 100
Thallium 2.5 2.1 -- 200
Zinc 10,000 13,000 110 5,000
Notes:Samples collected November 11, 2014.Results in micrograms per liter (µg/L), similar to parts per million (ppb)Only detected compounds are shown-- = Not detected at or above the laboratory's reporting limitMDE Groundwater Cleanup Standard (GCS) for Type I and II Aquifers (MDE Interim Final Guidance Update No. 2.1, June 2008)VOCs = Volatile Organic CompoundsTPH = Total Petroleum HydrocarbonsDRO = Diesel Range Organics
Sample IdentificationGCS
(µg/L)
APPENDIX D
EXAMPLE CAP INSPECTION FORMS
Attach additional sheets as necessary Page ___ of ____
CAP INSPECTION FORM
Location: Date/Time:
Inspector: Weather:
PAVEMENT Overall
Condition
Specific Areas of Note (use PCI, below, and attach sketches/ photographs, as needed)
Area PCI Comments
Pavement Condition Index (PCI)Response? PCI Characterization Description
Optional 1 New, crack-free surface Black in color, smooth texture 2 Oxidation has started Short hairline cracks start to develop. Dark gray color. 3 Oxidation in advanced state Hairline cracks are longer and wider. Gray in color.
Required
4 Oxidation complete Crack area ¼” wide and crack lines have found base faults. 5 Moisture penetrating through ¼” cracks. Loose
material (stone and sand) evident. Texture of surface becoming rough. Preventive maintenance.
6 Cracks widen and join. Cracks and shrinkage evident at curb and gutter lines. 7 Potholes develop in low spots. Gatoring areas begin to break up. Overall texture very rough. 8 Potholes developing. Pavement breaking up. 9 Heaving due to excessive moisture in base. Distorts entire surface.
10 General breakup of surface.
SIDEWALKS/CURBS/FENCING Sidewalks /Fencing Curbs and Gutters
Overall Condition
Check all that apply Sound Deteriorated
Cracked/boken Root Intrusion
Sound Cracked Deteriorated Root Intrusion
Other Comments
LANDSCAPED AREAS Overall Condition
Check all that apply Sound Erosion Healthy Plant Condition Mortality Animal Burrows
Trees Healthy Poor Health Dead Fallen Other______________________
Shrubs Healthy Poor Health Dead Fallen Other______________________
Vent Risers and Piping at Light Poles
Good Condition Cracked Broken/ Damaged Other______________________